📄 Extracted Text (395 words)
LB REVOCABLE TRUST
LB HERITAGE AND LEGACY TRUST
Open Items
I. LB Revocable Trust Agreement
A. Artwork and Book Collection. The LB Revocable Trust Agreement
currently provides that artwork and collectible books includible in LDB's estate at death
will pass, in trust, for DRB. Upon DRB's death, such items will pass to the Foundation,
subject to a power of the Trustees to distribute selected works of art and books, in trust,
for the benefit of LDB's children. Will LDB identify certain works of art and collectible
books to pass, in trust, to his children?
B. Residences. Substantial residential roperty is owned by DRB or in joint
name (onl owned in LDB's sole name).
Because LDB and DRB's testamentary plans may vary, the order of death will have an
impact on the ultimate disposition of such residential properties. Specifically, while'.
ultimately will pass to the Heritage Trust, the other properties will pass to
t e entage rust if DRB predeceases but otherwise will pass according to DRB's
testamentary plan.
C. Residue. If the power to direct art is exercised (as described in paragraph
A), so art is subject to estate tax, the residue will be reduced significantly by estate tax.
To the extent art instead passes to the Foundation, the residue will be larger. Assuming
we expect a substantial residuary estate, does LDB wish to employ the zeroed-out CLAT
strategy?
II. LB Heritage and Legacy Trust Agreement
A. Entrepreneurial Ventures. The LB Heritage and Legacy Trust Agreement
currently provides that the Trustees have discretion to invest principal of the Heritage
Trust in one or more entrepreneurial ventures of LDB's descendants. However, the
Trustees may not invest more than 10% of the Heritage Trust principal in any such
ventures if the entrepreneur is a child and not more than 5% if the entrepreneur is a
grandchild. The Trustees also may not invest in more than three ventures per descendant
over his or her lifetime.
1. Would LDB like to change the proportion of Heritage Trust
principal that may be invested in a descendant's venture? It has been suggested that the
cap be reduced from 10% to 5% for children and from 5% to 2.5% for grandchildren.
2. Would LDB like to change the number of ventures per descendant
in which the Trustees may invest? It has been suggested that this limitation be removed
entirely.
Doc#: US1:9479746v1
EFTA01185300
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